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2024 (8) TMI 1176 - AT - Income Tax


Issues Involved:
1. Adjustment on account of management charges paid to Associated Enterprises (AEs) towards intra-group services.
2. Transfer Pricing Adjustment on account of imputed interest on delayed receivables.

Detailed Analysis:

Issue 1: Adjustment on Account of Management Charges
Background:
The assessee, engaged in manufacturing, trading, and marketing of rubber hoses, filed a return declaring total income under normal provisions. The case was selected for scrutiny, and the Transfer Pricing Officer (TPO) made adjustments relating to management charges paid to its AE and imputed interest on outstanding receivables. The Dispute Resolution Panel (DRP) upheld these adjustments, leading to the final assessment order. The assessee appealed to the Tribunal.

Assessee's Contentions:
- The assessee argued that the management services are centralized and intra-group services integral to its business operations.
- The Transactional Net Margin Method (TNMM) was adopted for all intra-group transactions, including management services, which was accepted by the TPO/AO in previous years.
- The TPO segregated management services and applied the Comparable Uncontrolled Price (CUP) method, assigning a 'Nil' value, which the assessee contended was incorrect.
- The assessee provided contemporaneous evidence, including emails and agreements, to substantiate the receipt of services and argued that the costs were cost-efficient and in line with OECD guidelines.
- The assessee cited various judgments, including Sony Ericson Mobile Communication vs. CIT and Magneti Marelli Power Train India vs. CIT, to support the use of TNMM over CUP for closely linked transactions.

Revenue's Contentions:
- The TPO and DRP contended that the assessee failed to provide sufficient evidence of services received and the cost-benefit analysis.
- The TPO applied the CUP method due to the lack of specific evidence and determined the ALP of management services at 'Nil.'
- The Revenue relied on various tribunal decisions supporting the segregation of transactions and applying CUP for management services.

Tribunal's Findings:
- The Tribunal found that the assessee provided sufficient evidence of services received and the benefits derived, including increased profitability.
- The Tribunal noted that the TPO did not identify any comparable uncontrolled transaction to justify the application of CUP method.
- The Tribunal emphasized that the TPO's role is to determine the ALP, not to question the commercial wisdom of the assessee.
- The Tribunal criticized the DRP for passing a summary order without objective examination.
- The Tribunal concluded that the management services should not be segregated from other intra-group services and upheld the TNMM method adopted by the assessee.

Conclusion:
The Tribunal quashed the adjustments made towards payment of management services and reinstated the value of transactions under the TNMM methodology.

Issue 2: Transfer Pricing Adjustment on Account of Imputed Interest on Delayed Receivables
Background:
The TPO made an adjustment for imputed interest on delayed receivables beyond 60 days, treating it as an international transaction and applying Libor + 400 BPS.

Assessee's Contentions:
- The assessee argued that outstanding receivables are not independent transactions but part of the sales transactions already benchmarked under TNMM.
- The assessee contended that no interest was charged on delayed receivables even from third parties.
- The DRP directed to allow working capital adjustment, which was not followed by the TPO/AO.

Tribunal's Findings:
- The Tribunal noted that the Hon'ble Delhi High Court in Kusum Healthcare Pvt. Ltd. and other cases held that receivables are not automatically international transactions and emphasized the importance of working capital adjustments.
- The Tribunal found that the working capital adjustment subsumes the interest on receivables, making separate benchmarking unnecessary.
- The Tribunal observed that the DRP's directions were not implemented, and the PLI after working capital adjustment was still better than comparables.

Conclusion:
The Tribunal deleted the adjustment for imputed interest on delayed receivables, adjudicating in favor of the assessee.

Result:
The appeal of the assessee was allowed, and the adjustments made by the TPO/AO were quashed.

 

 

 

 

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